Petitioner: DEPARTMENT OF HEALTH, BOARD OF DENISTRY
Respondent: MOUNIR ALBERT, D.D.S.
Judges: ROBERT E. MEALE
Agency: Department of Health
Locations: West Palm Beach, Florida
Filed: May 27, 2010
Status: Closed
Settled and/or Dismissed prior to entry of RO/FO on Tuesday, September 7, 2010.
Latest Update: Nov. 15, 2024
MAY-27-2818 15:51 pHCA May 2P 2010 15:00
STATE OF FLORIDA
DEPARTMENT OF HEALTH
DEPARTMENT OF HEALTH,
PETITIONER,
v. CASENO.: 2005-65765
MOUNIR ALBERT, D.D.S.,
RESPONDENT.
ADMINIST RATIVE COMPLAINE
COMES NOW Petitioner, Department of Health, by and through its
undersigned counsel, and files this Administrative Complaint before the
Board of Dentistry against Respondent, Mounit Albert, D.D.S., and in support
thereof alleges:
1. Petitioner is the state department charged with regulating the
practice of deritistry pursuant fo Section 20.43, Florida Statutes; Chapter
456, Florida Statutes; and Chapter 466, Florida Statutes. .
2. _ At all times material to this Complaint, Respondent was a
licensed dentist within the State of Florida, having been issued license
number 10217.
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3. Respondent’s address of record is 2200 North Dixie Highway,
Boca Raton, Florida 33431.
4. Patient G.P., a 56 year-old female, Was an established patient of
record of the Respondent from on or about May 10, 2002, to on OF about
May 27, 2004. From May of 2002 through on oF about March 29, 2004,
Respondent attempted a course of treatrnent to nlace two fixed bridges;
one each in the right and jeft upper quadrants of Patient G.P’s mouth at
teeth numbers 2-8 and 9-14.
5. During this course of treatment, Respondent failed to produce
adequate pre OF post-op (full mouth) x-rays OF comprehensive treatment
plan options to justify such major restorative treatments on this patient.
Respondent apparently presented his fixed bridge treatment plan, but did
not present any alternate written treatment plans with explanation of risks
and benefits, and did not present options for removable prostheses OF
impiant supported bridgework which would have been more appropriate
for the patient's oral health and teeth bone structure.
6 On of about May 10, 2002, Patient G.P. presented to
Respondent's office complaining of a loose temporary acrylic full upper
mouth bridge (placed by a previous provider) which was causing her
discomfort and pain. Respondent performed an intra-oral examination of
DOH v. Mounitr Albert, 0.D.5.
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AHCA
Patient GP, took 4 periapical y-rays, and advised the patient he could provide
beautiful fixed porcelain bridges to replace the full mouth upper temporary
bridge. Respondent noted periodontal conditions with 3-4 mm pockets on all
the upper teeth. There was no documentation that Respondent attempted to
fully diagnose Patient G.P’s comprehensive oral health including extstence of
adequate bone structure, or need to clear any periodontal conditions or
infection before proceeding with further restorative treatment.
7. The Respondent also attempted prée-bridge crown seating
restorations at teath numbers 8, g, and 10, treatments which either failed
or were deficient with poor over-hang contours contributing to periodontal
involvement in Patient G.P’s mouth. ‘Temporary bridges were placed
between May of 2002 and June 11, 2003.
Bridge Placement Work
(8. From on or about June 14, 2003, through on or about May 27,
2004, Patient G.P. presented to the Respondent for prep work, impressions
and placement of the fixed bridges in both the upper quadrants between
teeth numbers 2-8 and 9-14. Respondent proceeded with prasthetic
placement without awaiting resolution of previously diagnosed periodontal
conditions and without fully determining that Patient G.P’s bone structure
DOH v. Mourir Albert, D.0.5.
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1G 15:52 AHA May 2? 2010 15:01
around abutment teeth was inadequate to support fixed prosthetics, 45
was evident in the pre-op x-rays he had taken.
9, During the entire course of treatment, Patient G.P. returned to the
Respondent multipie times with complaints of pain, soreness and discomfort
while eating and chewing related to the bridges. Patient G.P. complained the
bridgework caused retention of food particles making hygiene difficult and
tne sub-standard bridges looked and felt uncomfortable. Respondent was
unable to alleviate the problems with the itHitted bridges and crowri
restoration work tO remady Patient GP's complaints.
40. On or about May 1, 2005, Patient G.P. went fo 4 subsequent
treating dentist for an evaluation and giagnesis of the bridge and
restoration work that the Respondent had completed in August 2003. The
subsequent treater determined that three options were possible:
(a) Teeth numbers 2, 4, and 6, were compromised and
needed extraction prior to replacement of the fixed
bridge with implant supported bridgework (four
implants with a maxillary overdenture);
(b) Four implants with 4 Fixed restoration from canine to
canine or 1* premolar to 4* premolar with 2 precision
attachment partial denture to replace missing
posterior teeth; and/or
DOH v. Mounir Albert, D.D.S.
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(c) Place six implants following a sinus lift in maxillary
right quadrant to facilitate the additional impiants,
and replace the fixed prosthetics by the Respondent,
with a fixed implant supported restoration from tooth
numbers 4-13 with cantilevers at tooth numbers 3
and 14 positions.
11. The subsequent treater proposed a comprehensive remedial
treatment plan for replacing ali the bridges following other restorative and
therapeutic work, Subsequently, Patient G.P. filed this complaint with the
department on or about September 26, 2005.
42. On or about March 16, 2006, Patient G.P. presented for &
clinical examination before an agency ratained expert, conducted for the
sole purpose of ascertaining whether the restorative and prosthetic
treatment provided by the Respondent was within the prevailing standard
of care for such treatments in the dental community or whether it was sub-
standard. The agency expert initially determined that the Respondent
failed to produce to the department adequate treatment records, including
comprehensive full mouth x-rays, to justify such a comprehensive
extensive course of dental restorations in Patient G.P’s mouth.
DOH v. Mounir Albert, D.D.5.
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MAY-27-2618 15:53 HCA May 2f 2010 15:02
13, The agency expert specifically determined the following
deficiencies existed in the restorative work and bridgework performed by
the Respondent in Patient G.P’s mouth:
a) Respondent had utilized teeth numbers 2, 4, 6, 13, and 45
as abutment teeth for the bridges without adequately
determining that bone structure was deficient, that tooth
number 4 was endodontically compromised with a distal
pocket extending to its apex, that tooth number 2 was
periodontally compromised, that tooth number 13 exhibited
a periapical rarefaction indicating need for a root canal, and
that the root of tooth number 6 was broken off under the
gums;
b) Respondent utilized compromised tooth number 4 a5 an
abutment, which subsequently broke off and had to be
rebuilt prior to placement of the fixed bridge, and broken
off tooth number 6 was never recognized by the
Respondent. Crown restorations at teeth numbers 8, 9, and
10, aither failed or were deficient with poor over-hang
contours contributing to periodontal involvement in Patient
G.P's mouth;
c) The expert also determined from Respondent's pre-op *
rays provided by the patient that there was indication of
decay and/or periodontal problems with Patient G.P,, but
Respondent performed restorative work without resolving
those conditions regardless. .
14. The prevailing standard of dental care in performing bridgework
requires a dentist to perform adequate diagnosis to determine the optimal
design and appropriate use of a bridge and to properly make, seat, and fit
DOH v. Mounir Albert, D.D.S.
Case no. 2005-65765 6
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May 2? 2010 15:02
MAY-2?-2818 15:53 AHCA
such a device to strong abutment natural teeth. The Respondent utilized
Patient G.P’s teeth numbers.2, 4, 6, 13, and 15 as abutment teeth for bridges
without determining from a comprehensive examination if these teeth were
compromised and further weakened by endodontic and periodontal problems
in Patient &.P’s mouth. The Respondent dic not perform complete -
examinations including adequate x-rays, study models of the patient's mouth
or present any full mouth x-rays to support a comprehensive treatment plan
involving extensive restoration and prosthetic work in Patient G.P’s mouth.
15. The minimum standards of dental performance require a
dentist who seats and places crowns to properly prep the teeth being
restored, and to properly make, seat and fit crown restorations without
overhang to prevent aggravation of gums and surrounding tissue. The
Respondent failed to meet this standard in seating crowns in Patient G.P's
mouth for use in conjunction with prosthetic appliances placed by the
Respondent.
COUNT ONE
16. Petitioner realleges and incorporates paragraphs one (1) through
fifteen (15) as if fully set forth herein.
DOH v. Mounir Albert, D.D.5.
Case no. 2005-65765 7
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MAY-27-2018 15:53 AHCA May 27 2010 t102
17. Section 466.028(1)(x), Florida Statutes (2001-2003), states that
being guilty of incompetence or negligence by failing to meet the minimum
standards of performance in diagnosis and treatment when measured
against generally prevailing peer performance, including, but not limited te,
the undertaking of diagnosis and treatment for which the dentist ts not
qualified by training or axnerience or being guilty of dental maipractice, shall
constitute grounds for disciplinary action by the Board of Dentistry.
18. The Respondent was negligent and failed to meet the minimum
standards of dental performance in diagnosing and treating Patient GP. in
one or more of the following ways:
a) The Respondent failed to provide a comprehensive
diagnosis with adequate radiographs, and
comprehensive treatment plan options prior to
initiating restorative work in Patient G.P’s mouth in
2002-2003; ;
b) The Respondent failed to give ample consideration
to clear up the periodontal conditions/infections
Patient G.P. initially presented with in May 2002,
before proceeding with restorative bridge work;
c) The Respondent failed to diagnose and treat
periodontal and endodontic conditions in Patient
G.P’s5 mouth before proceeding with comprehensive
restorative bridge work;
d) Respondent utilized teeth numbers 2, 4, 6, 13, and
45 as abutment teeth for the bridges without
DOH v. Mounir Albert, 2.0.8.
Case no. 2005-65765 8
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MAY-2?-2618 15:54
e)
19. Based on the foregoing, the Respondent has violated Section
466.028(1)(x), Florida Statutes (2001-2003), by being guilty of
incompetence or negligence by failing to meet the minimum standards of
performance in diagnosis and treatment when measured against generally
prevailing peer performance, including, but not limited to, the undertaking of
diagnosis and treatment for which the dentist is not qualified by training or
May 2? 2010 15:03
AHCA
adequately determining that bone structure was
deficient, that tooth number 4 was endodontically
compromised with a distal pocket extending to its
apex, that tooth number 2 was periodontally
compromised, that tooth number 13 exhibited a
periapical rarefaction indicating need for a root
canal, and that the root of tooth number 6 was
broken off under the gums;
Respondent utilized compromised tooth number 4
as abutment, which subsequently oroke off and had
to rebuilt prior to placement of the fixed bridge,
and broken off foath 6 was never recognized by the .
Respondent. Crown restorations at teeth numbers
8, 9, and 10, either failed or were deficient with
poor over-hang contours contributing to periodontal
invoivament in Patient G.P’s mouth.
experience or being guilty of dental malpractice.
20. Petitioner realleges and incorporates paragraphs one (1) through
COUNT TWO
fifteen (15) as if fully set forth herein.
DOH v. Mounir Albert, 0.0.5.
Case no. 2005-65765
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21. Section 466,028(1)(m), Florida Statutes (2001-2003), provides
that failing to keep written dental records and medical history records
justifying the course of treatment of the patient including, but not limited
to, patient histories, examination results, test results, and X rays, if taken,
constitutes grounds for disciplinary action by the Board of Dentistry.
22. Respondent failed to produce adequate treatment records or
full mouth x-rays to justify the course of treatment in Patient G.P’s mouth.
Respondent apparently presented his fixed bridge treatment pian, but did
not present any alternate written treatment plans with expianation of risks
and benefits and did not present options for removabie prostheses of
implant supported bridgework which would have been more appropriate
for the patient’s oral health and teeth bone structure. There was no
documentation that Respondent fully diagnosed Patient G.P’s cornprehensive
oral health including existence of adequate bone structure or need to clear
any periodontal conditions before proceeding with restorative treatment.
93. Basect on the foregoing, Respondent has violated Section
466.028(1)(m), Florida Statutes (2001-2003), by failing to keep written
dental records and medical history records justifying the course of
treatment of the patient.
DOH v, Mounir Albert, D.D.5.
Case no, 2005-65765 10
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MAY-2?-2618 15:54 AHCA May 2¢ 2010 15%05
WHEREFORE, Petitioner respectfully requests that the Board of
' Dentistry enter an order imposing one or more of the following penalties:
permanent revocation or suspension of Respondent's license, restriction of
practice, imposition of an administrative fine, issuance of a reprimand,
placement of Respondent on probation, corrective action, refund of fees
billed or collected, remedial education and/or any other relief that the
Board deems appropriate.
SIGNED this yh day of Suby , 2006.
M. Rony Francois, M.D, M.S.P.H., Pr.D.
Secretary, Departrnent of Health
FI LE D Wayne Mitchell
OEPARTMENT OF HEALT+ Assistant General Counsel
DEPUTY cL
ous laura i DOH Prosecution Services Unit
OATE - 0 4052 Bald Cypress Way Bin C-65
Tallahassee, Florida 32399-3265
Florida Bar #869414
(850) 245-4640/FAX: 245-4683
DOH v Mounir Albert, D.0,S., Case No, 2005-65765
pep: 7/2,/ a &
PCP Members: C7, WK, JT
JAPSU\Medicalwayne mitchell\1-O6fdntAC's\albert 2005-65765(x)(m)brdgrstms.doc
DOH v. Mounir Albert, D.D.5.
Case no. 2005-65765 . N
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NOTICE OF RIGHTS
Respondent has the right to request a hearing to be
conducted in accordance with Section 120.569 and 120.57,
Fiorida Statutes, to be represented by counsel or other qualified
representative, to present evidence and argument, to call and
cross-examine witnesses and to have subpoena and subpoena
duces tecum issued on his or her behalf if a hearing is requested.
NOTICE REGARDING ASSESSMENT OF casts
Respondent is piaced on notice that Petitioner bas incurred
costs related to the investigation and prosecution of this matter.
Pursuant to Section 456.672(4), Florida Statutes, the Board shall
assess casts related to the investigation and prosecution of 4
disciplinary matter, which may include attorney hours and costs,
on the Respondent in addition to any other discipline imposed.
DOH v Mounir Albert, D.D.S., Case No, 2005-65765
DOH v. Mounir Albert, D.D.S. :
Case no, 2005-65765 if
May 2? 2010 15:04
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MAY-27-2618 15:55 AHCA
M urphy, Myra
From: Murphy, Myra
Sent: Friday, February 19, 2010 2:17 PM
To: ‘drmouniralbert@ aol.com’
Subject: Case 2005.65765
Attachments: Albert.200565765.pdf
RE: Case No. 2005-65765
Attached is the Administrative Complaint for the above referenced case, | will send this via certified mail also.
Albert.200565765,
paf (604 KB)
Myra Murphy
Prosecution Services Unit
Department of Health/MQA
4052 Bald Cypress Way, Bin # C-65
Tallahassee, FL 32599-3265
850.245.4640 ext. 8189
Fax: 850.245.4683
Myra_Murphy @doh.state.fi,ug
The mission of the Department of Health is to promote, protect and improve the health of aif people in Florida, Our vision is a healthier future for the
people of Florida. MQA’s purpose 15 to protect the publi¢ through health care licensure, enforcement and information and our focus (§ to be the nation's
leader ih quality health cara regulation.
Please note: Florida has a very broad public records aw. Most writtan communications to or from stale officials regarding state businass are public
records available to the publle and media upon request, Your e-mail communications may therefore be subject to publle disclosure.
Docket for Case No: 10-002907PL
Issue Date |
Proceedings |
Sep. 07, 2010 |
Order Relinquishing Jurisdiction and Closing File. CASE CLOSED.
|
Sep. 02, 2010 |
Joint Motion to Relinquish Jurisdiction with Leave to Reopen filed.
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Aug. 17, 2010 |
Amended Notice of Hearing by Video Teleconference (hearing set for October 5 through 7, 2010; 9:00 a.m.; West Palm Beach and Tallahassee, FL; amended as to Dates of Hearing).
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Aug. 17, 2010 |
Order Severing Files (10-2653 and 10-2835).
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Aug. 13, 2010 |
Order Denying Motion in Limine.
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Aug. 13, 2010 |
Joint Motion to Relinquish Jurisdiction with Leave to Reopen filed.
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Aug. 13, 2010 |
Notice of Transfer.
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Aug. 13, 2010 |
Deposition of Leonard Jacobs, DDS with Exhibits (not available for viewing). |
Aug. 13, 2010 |
Petitioner's Notice of Filing Deposition Transcript of Leonard Joacobs with Exhibits .
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Aug. 12, 2010 |
Petitioner's Response to Respondent's First Motion in Limine (to Exclude/Limit Petitioner's Witnesses and/or Evidence) filed.
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Aug. 12, 2010 |
Petitioner's Pre-hearing Statement filed.
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Aug. 12, 2010 |
Petitioner's Witness List filed.
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Aug. 10, 2010 |
Respondent's Notice of Filing .
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Aug. 10, 2010 |
Deposition of Leonard Jacobs, DDS (not available for viewing). |
Aug. 10, 2010 |
Respondent's Exhibit List filed.
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Aug. 10, 2010 |
Respondent's First Motion in Limine filed.
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Aug. 10, 2010 |
Respondent's Witness List filed.
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Aug. 02, 2010 |
Notice of Taking Deposition Duces Tecum (of M. Albert) filed.
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Aug. 02, 2010 |
Notice of Taking Deposition Duces Tecum (of M. Mikhail) filed.
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Jul. 29, 2010 |
Cancellation of Notice of Taking Deposition Duces Tecum (of M. Albert) filed.
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Jul. 26, 2010 |
Cross-notice of Taking Deposition Duces Tecum (L. Jacobs) filed.
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Jul. 22, 2010 |
Amended Notice of Taking Deposition Duces Tecum (of M. Albert) filed.
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Jul. 22, 2010 |
Notice of Taking Deposition Duces Tecum (Leonard Jacobs, D.D.S) filed.
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Jul. 21, 2010 |
Respondent's Answers to Petitioner's First Set of Interrogatories filed.
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Jul. 21, 2010 |
Respondent's Responses to Petitioner's First Request to Produce filed.
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Jul. 20, 2010 |
Notice of Taking Deposition Duces Tecum (of M. Albert) filed.
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Jul. 19, 2010 |
Notice of Taking Deposition Duces Tecum (Harold Hearing, D.M.D) filed.
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Jul. 19, 2010 |
Notice of Taking Deposition Duces Tecum (Robert Shippee, D.D.S) filed.
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Jul. 19, 2010 |
Respondent's Responses to Petitioner's Second Request to Produce filed.
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Jul. 19, 2010 |
Notice of Taking Deposition Duces Tecum (H. C.) filed.
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Jul. 15, 2010 |
Notice of Service of Petitioner's Supplemental Response to Respondent's Request for Production to Petitioner, for DOAH Case Number 10-2907PL and DOH Case Number 2005-65765 (filed in Case No. 10-002907PL).
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Jul. 14, 2010 |
Notice of Service of Petitioner's Supplemental Response to Respondent's Request for Production to Petitioner, for DOAH Case Number 10-2835PL and DOH Case Number 2004-35747 (filed in Case No. 10-002835PL).
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Jul. 13, 2010 |
Notice of Service of Petitioner's Supplemental Response to Respondent's Request for Production to Petitioner, for DOAH Case Number 10-2653PL and DOH Case Number 2004-25037 filed.
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Jul. 01, 2010 |
Notice of Supplemental Service of Discovery for DOAH Case Number 10-2653PL filed.
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Jul. 01, 2010 |
Petitioner's Objections to Respondent's Pretrial Interrogatories to Petitioner, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2907PL and 2005-65765 filed.
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Jul. 01, 2010 |
Petitioner's Objections to Respondent's Pretrial Interrogatories to Petitioner, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2835PL and 2004-35747 filed.
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Jul. 01, 2010 |
Petitioner's Objections to Respondent's Pretrial Interrogatories to Petitioner, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2653PL and 2004-25037 filed.
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Jul. 01, 2010 |
Petitioner's Objections to Respondent's First Set of Expert Interrogatories filed.
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Jul. 01, 2010 |
Notice of Service of Petitioner's Objections to Respondent's Expert Interrogatories filed.
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Jul. 01, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Expert Interrogatories to Petitioner Without Forfeiting Previously Filed Objections for DOAH Case Number 10-2653 and DOH Number 2004-25037 (filed in Case No. 10-002907PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Objections to Respondent's Pretrial Interrogatories, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2907PL and DOH Case Number 2005-65765 (filed in Case No. 10-002907PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Pretrial Interrogatories for DOAH Case Number 10-2907PL and DOH Number 2005-65765 (filed in Case No. 10-002907PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Response to Respondent's Request for Production to Petitioner for DOAH Case Number 10-2907PL and DOH Case Number 2005-65765 (filed in Case No. 10-002907PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Expert Interrogatories to Petitioner Without Forfeiting Previously Filed Objections for DOAH Case Number 10-2835 and DOH Number 2004-35747 (filed in Case No. 10-002835PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Objections to Respondent's Pretrial Interrogatories, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2835PL and DOH Case Number 2004-35747 (filed in Case No. 10-002835PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Pretrial Interrogatories for DOAH Case Number 10-2835PL and DOH Number 2004-35747 (filed in Case No. 10-002835PL).
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Jul. 01, 2010 |
Notice of Service of Petitioner's Response to Respondent's Request for Production to Petitioner for DOAH Case Number 10-2835PL and DOH Case Number 2004-35747 (filed in Case No. 10-002835PL).
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Jun. 30, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Expert Interrogatories to Petitioner Without Forfeiting Previously Filed Objections for DOAH Case Number 10-2653 and DOH Number 2004-25037 filed.
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Jun. 30, 2010 |
Notice of Service of Petitioner's Objections to Respondent's Pretrial Interrogatories, Numbers 3, 5, 6, and 8, for DOAH Case Number 10-2835PL and DOH Case Number 2004-25037 filed.
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Jun. 30, 2010 |
Notice of Service of Petitioner's Answers to Respondent's Pretrial Interrogatories for DOAH Case Number 10-2653PL and DOH Number 2004-25037 filed.
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Jun. 30, 2010 |
Notice of Service of Petitioner's Response to Respondent's Request for Production to Petitioner for DOAH Case Number 10-2835PL and DOH Case Number 2004-25037 filed.
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Jun. 23, 2010 |
Order Granting Continuance and Re-scheduling Hearing by Video Teleconference (hearing set for August 19, 20 and October 5 through 7, 2010; 9:00 a.m.; West Palm Beach and Tallahassee, FL).
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Jun. 22, 2010 |
Notice of Service of Discovery (filed in Case No. 10-002907PL).
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Jun. 18, 2010 |
(Proposed) Order filed.
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Jun. 18, 2010 |
Unopposed Motion for Continuance of Final Hearing filed.
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Jun. 18, 2010 |
Respondent's Answer to Petitioner's First Set of Interrogatories filed.
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Jun. 18, 2010 |
Respondent's Responses to Petitioner's First Request to Produce filed.
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Jun. 14, 2010 |
Amended Notice of Appearance (filed by D. Graniano) (Amended as to Certificate of Service Only.
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Jun. 11, 2010 |
Respondent's Notice of Serving Expert Interrogatories to Petitioner filed.
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Jun. 11, 2010 |
Respondent's Notice of Serving Pretrial Interrogatories to Petitioner filed.
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Jun. 11, 2010 |
Respondent's Pretrial Request for Production to Petitioner filed.
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Jun. 10, 2010 |
Petitioner's Response to Respondent's Motions for Partial Summary Judgements and/or Motion to Dismiss filed.
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Jun. 08, 2010 |
Order of Pre-hearing Instructions.
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Jun. 08, 2010 |
Amended Notice of Hearing by Video Teleconference (hearing set for July 7, July 8; August 19, and 20, 2010; 9:00 a.m.; West Palm Beach and Tallahassee, FL; amended as to Consolidated Cases and Dates of Hearing).
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Jun. 08, 2010 |
Order on Petitioner`s Motion to Expedite Discovery.
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Jun. 08, 2010 |
Order of Consolidation (DOAH Case Nos. 10-2653PL, 10-2835PL, 10-2907PL).
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Jun. 04, 2010 |
Petitioner's Unilateral Response to Initial Order filed.
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Jun. 04, 2010 |
Respondent's Response to Initial Order filed.
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Jun. 01, 2010 |
Notice of Co-counsel Appearance filed.
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May 28, 2010 |
Initial Order.
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May 27, 2010 |
Petitioner's Response to Respondent's Motion to Dismiss filed.
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May 27, 2010 |
Notice of Appearance (filed by J. Peters).
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May 27, 2010 |
Answer to Administrative Complaint and Respondent's Motion to Dismiss Administrative Complaint filed.
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May 27, 2010 |
Election of Rights filed.
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May 27, 2010 |
Administrative Complaint filed.
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May 27, 2010 |
Agency referral filed.
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